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Dry Utilities <br /> The Project would result in service lines for new buildings to be extended or relocated from the <br /> existing infrastructure. While the Project would increase energy demand at the site compared to <br /> existing conditions, it would be required to comply with the latest applicable Building Energy <br /> Efficiency Standards and CAL.Green requirements which provide efficiency standards related to <br /> various building features, including appliances, water and space heating and cooling equipment, <br /> building insulation and roofing, and lighting reducing energy usage. The Project would also install <br /> solar panels on at least 30 percent of the roof area of buildings to generate electricity onsite, <br /> offsetting demand from Southern California Edison's electrical distribution system. As such, <br /> energy consumption for the project would be below California Energy Commission's forecasts, <br /> the City's forecasted consumption for the proposed buildout of the General Plan in 2045, and the <br /> current Countywide usage. Therefore, Project development would not require Southern California <br /> Edison or Southern California Gas Company to obtain new or expanded electricity or natural gas <br /> facilities, other than those proposed on-site. Thus, the Project's impacts related to the relocation <br /> or construction of new or expanded electrical or natural gas facilities would be less <br /> than significant. <br /> Further,the existing communication services such as telephone, wi-fi, and cable television would <br /> continue to be provided to the Project site by multiple providers. As various telecommunications <br /> providers are available in the region, no significant expansion or construction of the <br /> telecommunications network is anticipated. Therefore, the Project's impacts related to the <br /> relocation or construction of new or expanded telecommunications facilities would be less than <br /> significant. As such, impacts resulting from the Project would be less than significant. (Draft <br /> Supplemental EIR, pp. 4.15-26—4.15-27.) <br /> Threshold U-2: The Project would have sufficient water supplies available to serve the <br /> project and reasonably foreseeable future development during normal, dry <br /> and multiple dry years. <br /> Findings: The City finds that the Project would result in less-than significant impacts to utilities <br /> and service systems related to water supply. Additionally, the City finds that the Project will <br /> implement regulatory requirements RR U-5 through RR U-7 (listed above). (Draft Supplemental <br /> EIR, pp. 4.15-27—4.15-30.) <br /> Explanation of the Rationale: Water demand for the Project during construction activities such <br /> as soil compaction, dust control, and truck wheel washing, would be supplied by water trucks <br /> and/or through connections to nearby water distribution lines. Construction activities would occur <br /> intermittently throughout the construction period and would be temporary in nature; therefore, <br /> construction impacts related to water supply would be less than significant. <br /> For operations,the net water demand generated by the Project site at buildout would be 339 acre- <br /> feet per year (AFY) which is approximately 1 percent of the overall City water demand. The <br /> Project's future water demand from 2025 through 2045 would range from 300 AFY to 286 AFY. <br /> In addition to the City's existing and planned future uses, the projected water demand for the <br /> Project would be met by the City's water supply during normal, single-dry, and multiple-dry years. <br /> Additionally, the Project would comply with water conservation and efficiency requirements <br /> required by the Santa Ana Municipal Code, pay water connection fees, and implement GPU <br /> Resolution No. 2025 041 <br /> Page 60 of 140 <br />